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Philadelphia, PA 19103-2799
215.981.4000
Fax 215.981.4750
John P. Falco
direct dial: 215.981.4659
direct fax: 866.422.2114
falcoj@pepperlaw.com
March 27, 2017
Division of Investment Management U.S. Securities and Exchange Commission 100 F Street, NE Washington, D.C. 20549 Attn: James E. O’Connor, Senior Counsel | | |
Re: | FundVantage Trust Post-Effective Amendment No. 151 to Registration Statement on Form N-1A 1940 Act File No. 811-22027 1933 Act File No. 333-141120 Request for Withdrawal of Post-Effective Amendment to the Registration Statement Pursuant to Rule 477 |
Dear Mr. O’Connor:
We hereby request on behalf of FundVantage Trust (the “Trust”) the withdrawal of the above-referenced post-effective amendment (the “Amendment”) to the registration statement, filed with the Securities and Exchange Commission on February 13, 2017.
The Amendment was filed pursuant to Rule 485(a) to register a new class of shares for an existing fund. It is anticipated that the Trust will seek approval from the Commission to submit a post-effective amendment under Rule 485(b)(1)(vii) to become immediately effective. No securities were sold in connection with the Amendment.
| Very truly yours, |
| /s/ John P. Falco |
| John P. Falco |
cc: | Joel Weiss, President of FundVantage Trust John M. Ford, Esq. |
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